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Goals for the NMC to Consider. PROPOSED GOAL: Ensure that EPA's final inland water criteria rule recognizes the RA/TMDL loading targets for Tampa Bay as ?interim estuarine targets".Ensure that EPA recognizes the RA/TMDL loading targets for Tampa Bay as Estuarine Nutrient Criteria in the 2011 draft and final rules..
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1. Inland Numeric Nutrient Criteria:Ramifications for Tampa Bays RA/TMDL
2. Goals for the NMC to Consider PROPOSED GOAL:
Ensure that EPAs final inland water criteria rule recognizes the RA/TMDL loading targets for Tampa Bay as interim estuarine targets.
Ensure that EPA recognizes the RA/TMDL loading targets for Tampa Bay as Estuarine Nutrient Criteria in the 2011 draft and final rules.
3. Why should NMC consider this seriously? Proposed Inland Waters criteria have identified downstream protective loads for the Tampa Bay estuary
The downstream protective loads do not appear to be commensurate with the federally-recognized TMDL
4. Proposed Rules forFlorida Inland Waters Proposed rule signed Jan. 14, 2010
Comments due 60 days after publication in Federal Register (still pending)
Criteria developed for lakes, streams, canals and springs
5. Downstream Protective Loads are Proposed in Rules for Florida Inland Waters (contd) Proposed Inland Waters criteria also identify a downstream protective load (DPL) for the Tampa Bay estuary
TB DPL Target = 1421 tons/year* (p.118)
*Estimated TN load delivered to the estuary protective of aquatic life use. These estimates may be revised pursuant to the EPA final rule for numeric nutrient criteria for Floridas estuaries and coastal waters (October 2011).
6. Summary of EPAs current approach to determining DPL Estimated nutrient loads for background conditions by removing the fraction associated with anthropogenic sources (except atmospheric deposition)
Estimated current nutrient loads, using current land use and point source inputs.
EPA computed the protective TN load by reducing the current TN load by of the anthropogenic contribution to that load.
7. Comparison of EPA Proposed Approach to Tampa Bay RA loading targets and federally-recognized TMDL DPL for Tampa Bay (tons TN/yr): 1421
RA targets (tons TN/year):
Hillsborough Bay 1451
Old Tampa Bay 486
Middle Tampa Bay 799
Lower Tampa Bay 349
TOTAL: 3085
(Remainder LTB) 629 (TOTAL: 3714)
8. EPA Invites Input to the DPL EPA recognizes that additional data and analysis may be available, including data for particular estuaries, to help inform what numeric nutrient criteria are necessary to protect Floridas waters, including downstream lakes and estuaries. EPA also recognizes that substantial site-specific work has been completed for a number of these estuaries
9. EPA Invites Feedback, cont This notice and the proposed downstream protection values are not intended to address or be interpreted as calling into question the utility and protectiveness of these site-specific analyses
EPA is also interested in feedback regarding site-specific analyses for particular estuaries that should be used instead of this general approach for establishing final values
10. Goals for the TBNMC to Consider PROPOSED GOAL:
Ensure that EPAs final inland waters criteria rule recognizes the RA/TMDL loading targets for Tampa Bay as interim estuarine targets (DPLs).
Ensure that EPA recognizes the RA/TMDL loading targets for Tampa Bay as Estuarine Nutrient Criteria in the 2011 draft and final rules.
11. NMC Input on Potential Next Steps Potentially re-calculate inland DPV based on RA/TMDL loads as better justification of protective loads to Tampa Bay
Incorporate NMC RA 5-year assessments instead of EPA proposed 3-yr assessment (w/ 1-yr exceedence being a violation)
NMC response during EPA comment period should reiterate Dec. 19th arguments with further back-up
12. NMC Letter to EPA Argue that NMC approach considers a response-based approach ? include documentation of TB progress
Ben Grumbles comments on existing Tampa Bay RA/TMDL process
NMC costs associated with existing process (including actions by the participating entities)
Participants associated with NMC, and signed declarations from entities
Provide more technical arguments / comparisons of RA/TMDL loads? -> Provide information on regional SPARROW application vs. local application of model
Encourage EPA participation in State Estuarine Criteria workshops
Incorporate NMC RA 5-year assessments instead of EPA proposed 3-yr assessment (w/ 1-yr exceedence being a violation achieve better than 60% compliance)
Provide bulleted summary in letter
13. NMC Letter to EPA, contd. Ensure that RA document becomes part of the proposed EPA rule docket
Argue that existing actions have largely achieved the proposed DPLs
2003-2007 flow-weighted concentrations in place of proposed DPV
Focus letter on EPA accepting RA/TMDL loads as the DPLs
Include discussion on maintaining TN:TP
Provide other comments in subsequent letters?
Provide letter to NMC in 2-weeks
14. How to reach the right reviewer? Who are the right people to cc this information?
Upcoming EPA Workshops ? need to register to attend & speak
Representatives from TBEP (Holly) & TBNMC (Rob & Jeff)
Other NMC participants in support of TB process
Encourage NMC attendance at multiple workshops
Request informal meeting prior to EPA workshops w/ NMC participants ? if denied then document
Evaluate whether a technical meeting can be setup between EPA GB staff
Provide PR related to NMC RA process (Op-ed piece from NMC co-chairs, fertilizer ordinances, etc.)
Visit reps in Washington, D.C.
Invite reps to a special NMC meeting on subject
Solicit support from other groups?
15. Future Considerations TP limits forthcoming ? argue to maintain existing loads and/or TN:TP ratios
17. Questions/Issues The draft rule appears to assume that downstream waters require nutrient reduction. How and where in the draft rule does EPA consider existing conditions of downstream waters and whether a waterbody is currently meeting designated uses in downstream waters, including estuaries?
18. Questions/Issues, cont How and where does EPA recognize existing TMDLs in the proposed rule?
OTHER QUESTIONS & ISSUES:
19. Goals for the NMC to Consider PROPOSED GOAL: EPAs final freshwater criteria rule recognizes the RA/TMDL loading targets for Tampa Bay as interim estuarine targets.
EPA recognizes the RA/TMDL loading targets for Tampa Bay as Estuarine Nutrient Criteria in the 2011 draft and final rules.
Determine how best to provide site-specific analyses for particular estuaries that should be used instead of this general approach for establishing final values.
20. Downstream Protection for Estuaries (EPA Proposed pp. 99) Methodologies to calculate in-stream protective criteria would allow either of the following to be utilized by the State:
EPA's downstream protection values (DPVs), or
the EPA DPV methodology utilizing EPA's estimates of protective loading to estuaries but with the load re-distributed among the tributaries to each estuary, or
an alternative quantitative methodology*, based on scientifically defensible approaches, to derive and quantify the protective load to each estuary and the associated protective stream concentrations.
*Requires the State to go through Federal SSAC process (Section V.C)
21. Using an Alternative Methodology to Determine Downstream Protective Loads An acceptable alternate numeric approach also includes a method to distribute and apply the load to streams and other waters within the estuarine drainage area in a manner that recognizes conservation of mass and makes use of a peer reviewed model (empirical or mechanistic) of comparable or greater rigor and scientific defensibility than the USGS SPARROW model (p. 124).
22. Federal SSAC Process (p. 161) State, or applicants to the State, would submit to EPA
Can be developed following State (Type I or II) or Federal SSAC procedures (p.162)
Federal SSAC proposal would necessitate documentation that ensures that a larger load allowed from an upstream segment as a result of a SSAC does not compromise protection on a downstream segment that has not been evaluated.
Florida always has the option of submitting a State-adopted SSAC as new or revised WQS to EPA for review and approval under the CWA section 303(c)*
*However, State Type I SSAC process can currently only be used for nutrients under State rules (p. 164)